Boston Dynamics · Boston Dynamics Privacy Policy · View original document ↗

No Sale or Marketing Sharing of Personal Information

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Document Record

What it is

The policy explicitly states that Boston Dynamics does not sell personal information, including personal information of minors, and does not share personal information with third parties for those parties' own marketing purposes.

This analysis describes what Boston Dynamics's agreement states, permits, or reserves. It does not constitute a legal determination about enforceability. Regulatory applicability and practical outcomes may vary by jurisdiction, enforcement context, and individual circumstances. Read our methodology

ConductAtlas Analysis

Why it matters (compliance & governance perspective)

This provision addresses CCPA opt-out and GDPR-related data monetization concerns directly; the explicit inclusion of minors' personal information aligns with heightened regulatory requirements under COPPA and CCPA provisions applicable to consumers under 16.

Consumer impact (what this means for users)

Under this clause, personal information collected by Boston Dynamics is stated as not being sold or shared for third-party marketing, and this prohibition is stated to apply to information about minors as well as adults.

Cross-platform context

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Monitoring

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▸ View Original Clause Language DOCUMENT RECORD
"
Boston Dynamics does not sell your personal information (and does not sell personal information of minors), and does not share your personal information with third parties for their own marketing purposes. We treat your personal information with the utmost respect and do not sell or share it with third party organizations for their own marketing purposes.

Excerpt from Boston Dynamics's Privacy Policy

ConductAtlas Analysis

Institutional analysis (regulatory & governance intelligence)

1) REGULATORY LANDSCAPE: This provision directly addresses CCPA requirements regarding the right to opt out of the sale of personal information, and COPPA obligations regarding children's data. The FTC enforces both COPPA and, alongside State AGs, CCPA-adjacent federal consumer protection standards. The explicit prohibition on selling minors' personal information engages CCPA provisions applicable to consumers under 16 requiring affirmative authorization before sale. 2) GOVERNANCE EXPOSURE: Low. This provision represents a commitment that narrows data monetization exposure rather than expanding it; however, compliance teams should verify that data sharing arrangements with marketing agencies and service providers referenced elsewhere in the policy do not constitute a 'sale' as defined under CCPA or applicable state law. 3) JURISDICTION FLAGS: California residents benefit from this commitment as it aligns with CCPA opt-out rights. The statement regarding minors is relevant across US jurisdictions where COPPA applies and in EEA contexts under GDPR provisions on children's data. The definition of 'sale' under CCPA is broad and includes certain sharing arrangements; legal teams should confirm that data flows to marketing agencies described in the sharing section do not meet the statutory definition. 4) CONTRACT AND VENDOR IMPLICATIONS: This commitment should be reflected in data processing agreements with marketing agencies and other third-party service providers to ensure contractual alignment with the stated policy. Vendor contracts should include representations that shared data will not be used for the vendor's own marketing purposes. 5) COMPLIANCE CONSIDERATIONS: Compliance teams should audit actual data flows to marketing agencies and advertising partners against this stated commitment to confirm operational alignment. Where Boston Dynamics uses targeted advertising or analytics platforms, a technical assessment of whether data passed to those platforms constitutes a 'sale' under applicable state law is warranted.

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Applicable agencies

  • FTC
    The FTC enforces COPPA and federal consumer protection standards relevant to representations about data sale and minors' personal information.
    File a complaint →

Provision details

Document information
Document
Boston Dynamics Privacy Policy
Entity
Boston Dynamics
Document last updated
July 5, 2026
Tracking information
First tracked
July 5, 2026
Last verified
July 9, 2026
Record ID
CA-P-015465
Document ID
CA-D-00909
Evidence Provenance
Source URL
Wayback Machine
Content hash (SHA-256)
a366229534c72ce05caa6a1c797ffb0b79f5bac5a1c46861b55c7ae133cac0e2
Analysis generated
July 5, 2026 02:31 UTC
Methodology
Evidence
✓ Snapshot stored   ✓ Hash verified
Citation Record
Entity: Boston Dynamics
Document: Boston Dynamics Privacy Policy
Record ID: CA-P-015465
Captured: 2026-07-05 02:31:38 UTC
SHA-256: a366229534c72ce0…
URL: https://conductatlas.com/platform/boston-dynamics/boston-dynamics-privacy-policy/provision/CA-P-015465/no-sale-or-marketing-sharing-of-personal-information/
Accessed: July 23, 2026
Permanent archival reference. Stable identifier suitable for legal filings, compliance documentation, and research citation.
Classification
Severity
Low
Categories

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Frequently Asked Questions

What does Boston Dynamics's No Sale or Marketing Sharing of Personal Information clause do?

This provision addresses CCPA opt-out and GDPR-related data monetization concerns directly; the explicit inclusion of minors' personal information aligns with heightened regulatory requirements under COPPA and CCPA provisions applicable to consumers under 16.

How does this clause affect you?

Under this clause, personal information collected by Boston Dynamics is stated as not being sold or shared for third-party marketing, and this prohibition is stated to apply to information about minors as well as adults.

Is ConductAtlas affiliated with Boston Dynamics?

No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Boston Dynamics.